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Motion To Postpone Trial | PDF | Legal Procedure | Separation Of Powers
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Motion To Postpone Trial

The plaintiff Dwayne R. Johnson filed a motion to postpone the initial trial scheduled for July 7, 2020 in the case against Stone Cold Automobile Repair Shop. The plaintiff's key witness Paige Luna will be unavailable to testify due to transportation issues. Luna is an indispensable witness who will testify regarding the contract between the plaintiff and defendant. The plaintiff requests that the hearing be rescheduled to the first week of August or another date convenient for the court.
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0% found this document useful (0 votes)
120 views2 pages

Motion To Postpone Trial

The plaintiff Dwayne R. Johnson filed a motion to postpone the initial trial scheduled for July 7, 2020 in the case against Stone Cold Automobile Repair Shop. The plaintiff's key witness Paige Luna will be unavailable to testify due to transportation issues. Luna is an indispensable witness who will testify regarding the contract between the plaintiff and defendant. The plaintiff requests that the hearing be rescheduled to the first week of August or another date convenient for the court.
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© © All Rights Reserved
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Republic of the Philippines

National Capital Judicial Region


METROPOLITAN TRIAL COURT
Makati City
Branch 214

DWAYNE R. JOHNSON,
Plaintiff,

-versus- CIVIL CASE NO. 11684615


For: Recission of Contract
with Damages

STONE COLD AUTOMOBILE REPAIR SHOP,


Defendant
x------------------------------------------------------------x

MOTION TO POSTPONE/SUSPEND TRIAL

COMES NOW, Plaintiff, thru undersigned counsel, unto this


Honorable Court respectfully states:

1. That the above entitled case is set for initial hearing on July 7,
2020;
2. That one of the key witnesses of the plaintiff, Paige Luna, has
been deemed unavailable due to transportation mishaps;
3. That the witness is an indispensable witness who will testify
regarding the contract entered between the Plaintiff and the
Defendant.

WHEREFORE, it is respectfully prayed that the hearing set on


July 7, 2020 be reset to another day preferably on the first week
of August 2020 or at the convenience of this Honorable Court.

Makati, Philippines, July 2, 2020.

Sgd.
Atty. Earl Anthony R. Reyes
Counsel for the Plaintiff
REYES AND PARTNERS LAW OFFICE
Counsel for the Defendant
2135 Pililia Street, Makati City
By:

EARL ANTHONY R. REYES


IBP Lifetime No. 123473364
PTR No. 2547732748283492
Roll No. 354793
MCLE Exemption No.
V63829394234
Tel No. 837363729

Copy furnish:

ATTY. SHANE J. MACMANDO


Counsel for Defendant
36485 Pililia Street, Makati City

EXPLANATION OF SERVICE
The foregoing Motion to Postpone/Suspend Trial was served on
SHANE J. MACMANDO by registered mail instead of personal
service as counsel for Plaintiff due to absence in the area.

SHANE J. MACMANDO

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